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1 successive actions agafnst .Defendants, and each- of them, to <br /> 2 secure compensation for damages sustained, thus requiring a <br /> 3 multiplicity of suits.. <br /> 4 51. Unless Defendants:, and each of them., are enjoined from <br /> 5 continuing their non-respons ve course of Conduct, FDIC will <br /> 6 suffer _irreparable injury in that the usefulness: and economic <br /> 7 value of the Togo-ts Property will be substantially dimi had.. <br /> 8 52. PDT- has no plain,, speedy, or adegnate remedy at law,. <br /> 9 and. injunctive relief is.. expressly authorized by SS526 and 7n: of <br /> 10 the Code of Civil Procedure. <br /> 11 53. In maintaining the nuisance, Defendants;, and each of <br /> 112- ... them, are acting with full knowledge of the consequences and <br /> 13 damages being caused toi FDIC and the :Togo"s Property, and their <br /> 14 conduct in creating said contamination was wAlful, oppressive <br /> 15 and; malicious, ... .q iAglyr FDIC is entitled to punitive damages <br /> 16 aga Inst. Defendants;, ;and each of ahem,, in a sum of be det+� rfnect <br /> 17 At trial. <br /> 18 TIftRD CAUSE of AgT Cly N FOR TRESPASS <br /> 19 $4. FDIC rep+ ats and realleges each and every ailegation <br /> 20 set forth in paragraphs 1 through 45, inclusive of this complain- <br /> 21 <br /> ompla -21 and incorporates them herein by reference as though set forthi in <br /> 22 full. <br /> 23 55.. At. all. tiaes ;herein mentioned, and during, the <br /> 2:4 respectve .periods of exercising ownership, p.osses"on:, and/or <br /> - con ral over the TogwOsr Property or Exxcsn Property, defendants, <br /> 25 and each ofthem, used and maintained such propertt, <br /> issi in such ;a <br /> 27 manner a►s to constitute ,a trespass to the Togors ProPerty ,in that <br /> 28 pefendant99 original release of hazardous contaminatesas alleged <br />